Thanks for the questions, Eric. So let me just first start with a little bit about 505(b)(1) versus 505(b)(2). The 505(b)(2) pathway is typically used for Me2 compounds where there's already been -- and then there's an existing approval for the active ingredient in the compound for which one seeks approval. Alternately, the 505(b)(1) pathway is for innovative therapies, which is much more appropriate for something on sepiapterin, which while its active ingredient is BH4, which is basically the active component of Kuvan, it has many factors that make it differentiated, which underlies the superior efficacy we've observed to date and why this is such a promising therapy. Since initially was in thinking about the 505(b)(2) pathway, that's where things were lined up, but we acquired it and after we did our own analysis and understanding of the relative benefits of each pathway, it became clear that the 505(b)(1) was much more appropriate. Now with the 505(b)(2) pathway since here, it is an active ingredient already approved, you can utilize the study not safety and efficacy studies, but other supportive studies like nonclinical studies that were used to support that approval. With the 505(b)(1) pathway, you don't have the ability to rely on those existing studies. Now the decision to switch is based on a couple of things. One, Stepan is quite differentiated in terms of its efficacy profile from Kuvan. Second, if you go 505(b)(2) pathway, the companies product, the company whose products you refer to, to utilize their studies can actually block you from launching the therapy for up to 30 months if they still have an orange for listed at. So obviously, we did not want to be in a situation where we would risk the launch of the compound. And then again, this really is a novel, innovative compound much more suited to the 505(b)(1) pathway. We then obviously had interactions with the agency to understand what would be required under the 505(b)(1) pathway. And that included things like juvenile toxicity and REPROTOX, all of which studies will be conducted, including the NDA, no issues there. And then for carcinogenicity, what's typically required is that you submit to the agency a weight of evidence request to request a waiver for carcinogenicity. Now, obviously, we were quite confident in getting that waiver. One, there's no evidence of genotoxicity in sepiapterin. In the sepiapterin non-clinical studies, the six-month and nine-month studies, there was no evidence of sepiapterin-related carcinogenicity, preneoplastic lesions and neoplastic lesions. Furthermore, while we weren't referring to the Kuvan NDA, the clinical experience with Kuvan over many years clearly demonstrates that there's no carcinogenicity risk associated with BH4. So we submitted all of that to the agency. Now the agency obviously came back and said that there's two different carcinogenicity studies. One is a two-year rat study. They said, fine, do that post-approval, no problem. But since you're in the 505(b)(1) pathway, they would want the 26-week mouse study to inform the label, because in the label, they have to say whether or not there's a potential carcinogenicity risk. And while we were under 505(b)(2) pathway, they could use the labeling in the Kuvan label, which referred to a risk of adrenal tumors, which has never been seen clinically. But they said, look, we have nothing to refer to. We have nothing to inform the label. So we need you to do this study. And since it's a standard part, it would be considered a standard part of the 505(b)(1) pathway, it'd be something you would need to submit with the NDA. Now, I'll also say -- and address the other part of your question, in our discussions, they were -- it was clearly stated that the safety and efficacy data we have with sepiapterin could support the full spectrum of patients, which would be our desired label. So we fully expect that once we get the study results, if it's required to have the study report for the mouse study for submission, once we have that, we expect a very smooth path from there. Again, given the incredible strength of the efficacy data we have, the safety data we have, and obviously, while far from ideal. The additional time we're going to have now is only going to build that dossier further with greater length of exposure, greater ability to show more durability and effect, the kinds of things we're seeing in a long-term open label study. And obviously, we're going to have even more data showing C-tolerance. We recently reported the latest update in the C-tolerance data. Yes, I am meeting in September, again, showing that patients are able to tolerate beyond the recommended daily allowance of protein and still have control of fetality. So the strength of this data remains. It is in no way impacted by the need to do this non-clinical study. It is an unfortunate delay. We're going to continue discussions with the agency if we could submit the application sooner. But the bottom line is, this is a strong differentiator compound. The data we have to-date, the studies we've done, show there's been no evidence of carcinogenicity risk. According to the study reports, we have genotoxicity and the like. And again, this continues to be a very -- this will be a very strong package.